Tesoro Refining & Marketing Company, LLC v. Alanddon LLC et al
Filing
86
ORDER granting 85 Stipulation; Re: 46 Motion for Partial Summary Judgment, Reply due by 9/24/2021. Signed by Judge Larry R. Hicks on 9/7/2021. (Copies have been distributed pursuant to the NEF - LG)
Case 3:19-cv-00449-LRH-WGC Document 86 Filed 09/07/21 Page 1 of 2
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA – NORTHERN DIVISION
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TESORO REFINING & MARKETING
COMPANY LLC, a Delaware limited liability
company,
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Plaintiff,
v.
ALANDDON LLC, a Nevada limited liability
company; KIM FIEGEHEN, as Guardian ad
Litem for DONALD A. LEHR, individually;
VALARIE M. LEHR, individually; and KIM
FIEGEHEN, as Guardian ad Litem, for ALLAN
G. FIEGEHEN, individually.
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CASE NO.: 3:19-cv-00449-LRH-WGC
ORDER TO
EXTEND DEADLINE TO FILE REPLY IN
SUPPORT OF DEFENDANTS’ MOTION
FOR PARTIAL SUMMARY JUDGMENT
(ECF No. 46) – FIRST REQUEST
Defendants.
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Plaintiff TESORO REFINING & MARKETING COMPANY LLC (“Tesoro”), by and through
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its attorneys of record, the law firm of LITCHFIELD CAVO LLP, and ALANDDON LLC, and KIM
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FIEGEHEN, as Guardian Ad Litem, for ALLAN G. FIEGEHEN and DONALD A. LEHR
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(collectively referred to as “Defendants”) by and through their attorneys of record, the law firm of
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ALLISON MACKENZIE, LTD., do hereby stipulate and agree as follows:
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1.
Plaintiff filed its first amended complaint on November 15, 2019 (ECF No. 17).
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2.
Defendants filed their answer to the amended complaint on May 29, 2020 (ECF 32).
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3.
The current deadlines, pursuant to the stipulated discovery plan and scheduling order –
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fourth request are: Discovery Cut-Off – June 14, 2021; Amend the pleading or add parties – February
26, 2021; Initial Expert Disclosure: February 14, 2021; Rebuttal Expert Disclosure: March 15, 2021;
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Case 3:19-cv-00449-LRH-WGC Document 86 Filed 09/07/21 Page 2 of 2
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Dispositive Motion Deadline: July 19, 2021 and Joint Pre-Trial Order: June 29, 2021.
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4.
On December 23, 2020, Defendants filed their Motion for Partial Summary Judgment
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on Plaintiff’s Second Claim for Relief (Breach of Contract against Guarantors)(the “MPSJ”)(ECF No.
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46).
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Plaintiff has agreed that Defendants’ shall have until Friday, September 24, 2021 to file
a Reply in support of its MPSJ (ECF No. 46).
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Plaintiff filed its response to Defendants MPSJ on August 30, 2021 (ECF No. 84).
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This is Plaintiff’s first request for an extension in regard to the MPSJ (ECF No. 46).
This extension will not affect the current deadlines.
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IT IS SO STIPULATED.
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DATED this 3rd day of September, 2021.
DATED this 3rd day of September, 2021.
By:
By:
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/S/ Ryan D. Russell
RYAN RUSSELL, ESQ.
Nevada State Bar No. 8646
rrussell@allisonmackenzie.com
ALLISON MacKENZIE, LTD.
402 North Division Street
Carson City, NV 89703
Tele: (775) 687-0202
Fax: (775) 882-7918
Attorneys for Defendants
/S/ Griffith H. Hayes
GRIFFITH H. HAYES, ESQ.
Nevada Bar No. 7374
ALICIA A. HAGERMAN, ESQ.
Nevada Bar No. 10891
LITCHFIELD CAVO LLP
3993 Howard Hughes Parkway, Suite 100
Las Vegas, Nevada 89169
Tel: 702-949-3100
Fax: 702-916-1779
Hayes@LitchfieldCavo.com
Hagerman@LitchfieldCavo.com
Attorneys for Plaintiff
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IT IS SO ORDERED.
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Date: September 7, 2021
_________________________
LARRY R. HICKS
United States District Judge
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